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HomeMy WebLinkAboutNC0003425_Comments on Draft Permit_20161103 (2)(> DUKE ENERGY Harry K. Sideds Senior Vice President Environmental, Health & Safety 526 S. Church Street Mail Code: EC3XP Charlotte, NC 28202 (704) 382-4303 October 31, 2016 Teresa Rodriquez, P.E. V'�a�er cjuall'q Division of Water Resources �er�itti91q �ecyUr 1617 Mail Service Center Raleigh, NC 27699-1617 Subject: Comments on the DRAFT NPDES Permit for Roxboro Steam Electric Plant Permit No.: NC0003425 Person County Dear Ms. Rodriquez: Duke Energy Progress, LLC submits the following comments on the draft National Pollutant Discharge Elimination System Permit for Roxboro Steam Electric Plant, issued for public comment by the North Carolina Department of Environmental Quality ("NCDE(X) on August 26, 2016. Duke Energy appreciates NCDEQ's efforts to develop the Draft Permit, which addresses novel issues associated with surface impoundment decommissioning and modifications required to facilitate those changes. Finalizing this wastewater permit is a critical step to advance that process by authorizing decanting and dewatering. In addition to these general comments, Duke Energy offers the following comments and requests for modification and/or clarification on specific provisions of the Draft Permit: 1. On page 2 of 23, Please include "extracted groundwater " as a potential contributing flow to outfall 003 and outfall 001 and "yard sump overflow" as a potential contributing overflow to outfall 003. A new yard sump will have to be constructed to direct waters to the retention basin. It is being constructed with duality of pumps however Duke requests that flow from the sump be included as a flow to outfall 003 in the rare event that the sump might have an overflow. Overflow of the sump would lead to the heated water mixing zone and eventually to outfall 003 approximately 2. On Page 2 of 23, please list the retention basin (internal outfall 012) as a potential flow path for internal outfall 005 (Cooling Tower Blowdown) in addition to the ash basin and the discharge canal. 3. On Page 2 of 23, please list the retention basin (internal outfall 012) as a potential flow path for internal outfall 008 (Domestic wastewater treatment system) in addition to the ash basin. Upon cessation of flows to the ash basin, flows from the domestic wastewater plant will be directed to the retention basin (internal outfall 012). • Page 12 4. On Page 2 of 23, please list the retention basin (internal outfall 012) as a potential flow path for landfill leachate as discussed in our August 2016 NPDES application update submittal (item #7). 5. On Page 2 of 23, please list the "anhydrous ammonia testing waters and emergency flows" as a flow source to outfall 003. It is currently incorrectly listed as a flow source to outfall 002. 6. On page 4 of 23, the sampling frequency for Acute Toxicity should be clarified as "Quarterly" to align with the required frequency in condition A.(14) of the permit. 7. On page 5 of 23 and page 7 of 23, the requirement related to turbidity on internal outfall 002 would not seem to apply to an internal outfall. This condition seems to be more applicable to outfall 003. Duke requests the turbidity conditions on page 5 and 7 related to turbidity of internal outfall 002 be deleted. If turbidity sampling is required, it would be most applicable on outfall 003. 8. On page 5 of 23, the requirement related to bottom ash transport water states the no discharge limit only applies to bottom ash transport water generated after November 1, 2018. Duke requests this statement be clarified to state that the no discharge limit of bottom ash transport water only applies to bottom ash transport water generated after April 30, 2021, which is the same date that discharges of bottom ash transport water must cease. 9. On page 7 of 23 (Outfall 002 — dewatering), it is unclear how the flow limit of 1.0 MGD was developed. For a facility the size of Roxboro, this flow limit is too restrictive. Current flows from the ash basin are —12-15 million gallons. Duke requests that the flow limit be clarified to only apply to interstitial water treated through additional physical/chemical treatment system and the flow limit be increased to 2.0 MGD to align with the flow limit proposed for the Mayo Steam Electric Plant. 10. On page 7 of 23, Duke requests that pH on the internal wastestreams be removed. EPA has previously allowed commingling as a treatment for internal flows. Please see reference documents previously submitted on other Duke permits with this request (Attachment 1). 11. On page 9 of 23, Section A.(5), Duke requests that language be added to the to the description of the Coiling Tower Blowdown flow path to include the retention basin (internal outfall 012) or the Heated Water mixing Zone. Currently, the language states that cooling tower blowdown only goes to the ash basin. 12. On pages 12 and 13 of 23, Duke requests removal of footnote #4 related to pH. There is not pH limit on this internal outfall. Page 13 13. On page 13 of 23 footnote #2 for both Outfall 010 and 011, Duke requests the deletion of biological treatment in footnote #2 to state "Samples taken in compliance with the monitoring requirements listed above shall be taken prior to mixing with other sources of wastewater." 14. On page 13 of 23, Section A.(12), Duke requests that two internal outfalls be permitted as future low waste retention ponds. Duke discussed the possibility of two such basins (located on the east and west side of the plant) in item #1 of the August 15, 2016 NPDES application update submittal. Duke requests these basins (which would both be internal flows) be permitted as outfall 012a and outfall 012b. 15. On page 14 of 23, Duke requests the addition of the following language at the beginning of Section A. (13) Seeps: "All previously identified seeps from this facility are contributing flows to permitted outfalls 001 or 003. There are no seeps that discharge directly to jurisdictional waters." Duke Energy welcomes any further discussion on our comments or the Draft Permit. If you have any questions, please contact Shannon Langley at 919.546.2439 or at shannon.langley@duke-energy.com. Sincerely, Harry Sideris Duke Energy Senior Vice President - Environment, Health & Safety Attachments cc: Mr. Jon Hennessey—Roxboro Public Hearing officer 1617 Mail Service Center Raleigh, NC 27699-1617 Page 15 Attachment 1 Reference document on internal pH limits related to ELG's October 2016 comment letter on Roxboro DRAFT NPDES permit SENT BY:ENV AFFAIRS P 2-22-9= 7:36AM ; 53473 917888218;4 2 UNITED STATES ENVIRONMENTAL. PROTECTION AGENCY WAB(HINIGTON, D.C. 20450 Mr. Louis Canziani New York State Department of Environmental Conservation Room 6126 Two world Trade Center- New enter-New York, HY 10047 Deer lir. Canziani ; This is to confirm our recent conversation regarding effluent limitations guidelines for the steam electric power industry (40 CFR Part 423). In my letter of June.22, 1984 to Ms. Ursula Basch of your office, I summarized the applicability of the steam electric regulation pH limitat-ion as applicable to low volume waste streams when such wastewaters are commingled with (once -through) cooling waters. The interpretation that I provided was not in accord with prior information and instruc- tions provided to EPA and State permitting authorities on this subject. The pH limitation per Part 423 applies at the "end -of - pipe" discharge to surface waters when the wastewater discharge contains low volume wastewater that is commingled" with once - through cooling water. However, the intent of Part 423 is also that the total suspended solids and oil and grease limitations applicable..t.o low volume waste streams be applied to the low volume waste component of such a combined discharge prior to cnmmingiing of the individual waste streams. 1 apologize for any confusion in permit development or delays in permit issuance that may have occurred in this matter. ��//� Iryoou have any further questions, please contact me at ( 2 0 2) 382-31. I 1 Sincerely, Dennis Ruddy' Project Officer Industrial Technology Division UNITED STATES ENVIRONMENTAL i`ROTECTION AGENCY JUN 2 2 ti,,,�,n Ms. Ursula Basch New York State Department of Environmental Conservation Room 6126 2 World Trarie Ct-nt¢r New 'fork, New York 1€3047 Dear Ms. Basch: This is in response to- your ggzestinns during our discussion on June 2.1 regarding the effluent limitations guidelines for the steam electric industry (40 CFR Part 423). Tp -e- pil limitationa,,,ppl icable to low volume waste streams is int ded to re.qui-r-e "that low volume waste streams he treated, as�necessary, to comply with the pH limitation prior to discharge. Furthermore, the basis for compliance with the pH limitation is not buffering or dilution provided by cooling Waters or other waste streams which are commingled with low volume wastes. I trust that this inforr.�ation is responsive to your questions. Please call me if you have any further questions, (202-392-7165) Sincerely, �..Sf Dennis Ruddy Project Officer. Effluent Guidelines Divisio; M 14 i t6 U A I _t M UNITED STATES ENVIRONMENTAL PROTECTION AGENCY REGION III 6TH AND WALNUT STREETS PHILADELPHIA. PENNSYLVANIA 19106 In reply refar to 3 Eid 21- — March 10, 1976 •F,,�; �• �QN� ...:� NG Mr. .Tames Long Power Plant Services Section �+,•,• ..rte �wp .. Philadelphia Electric Company 2301 Market Street Philadelphia, Pennsylvania 19101 Dear Mr. Long: This is in response to your second progress report subaitted February 10, 1976 for the Chestdr Generating Station (PA 0011614), in which you propose to d: charge boiler blowdown, zeolite softener regenerates, and evaporator blovdmn u the receiving stream without pH neutralization. Please be advised that 4007R Part 423.32(b)(1) requires the pH of all discharges from power plants (except once -through cooling water) to be in the range of 6 - 9. Economics were considered prior to the development of the final guideline limitations, therefore the expense you have cited as being associated with neutralizing thes4 effluent streams is not a valid argument against. treatment. A policy decision vas made during the -EPA -PEA meeting in Washington, D.C. that may influence your situation with respect to neutralizing these effluent streams. It was decided that waste -streams could be combined with cooling watea for the sole pujbbye neu a as ong as _thenal disc r>:e was U the -2# ran a of b - 9. Thiso cy not inconsistent with guideline reguire- ments. It should a noted havaver, that pollutant parameters other than pH vil: Be—limited and moaiLore r oz to fie com-b'�nat`3oa -o_f a part cu ar waste source category with coo33ng water. I trust this will enable you to complete your treatment plans. If there are any questions, please don't hesitate to contact me at 215 597-3689. Si ycere yours r Bruce P.Smith Delmarva -D.C. Section Consolidated Edison Company of New York, Inc. 4 irvina Place, New York, N.Y. 30003 September 21, 1984 Mr. Dennis Ruddy (WH -552) Project Offices Effluent Guidelines Division U.S. Environmental Protection Agency 401 M Street-S.W.. Washington D.C. 20460 Re: pig Limits on Power Plant Internal Waste Streams Dear Mr. Ruddy: " :..Enclosed"..for you ".in£orMatiQnz .. is -a -".copy - of. Con,., Edison °"s comments to" NYSDEC -concerning proposed pH -limits' and monitoring requirements specified in the draft renewal permit for Con Edison`s Waterside Station. These comments expand upon Con Edison's position concerning pH limits on internal waste streams, as expressed during our August 10 meeting and detailed in previ- ous correspondence, (In particular, see p.5, paragraph 2, section 3 (a) (5) , section 3 (b) and section 3 (c) for new/expanded arguments). If you have any questions, please contact me at (212) 460-2522. We look forward to further discussions with you concerning this issue. Very truly ,yours, Barry H. Cohen Senior Environmental Engineer Water & Waste Management 1gp Attachment cc: Mr. J. William Jordan (EN -336) Chief NPDES Technical Support Branch U.S. Environmental Protection Agency 401 M Street S.W. Washington D.C. 20460 1 ?. p� i?eauireuer.ts (See .rr�.uent Timitat-or.s aid, Mcr_itcrir_g :Requirements, p.2). DEC proposes to ma.intair tine current r_I?. 14_r4_tzt4_.cn (range of 6.0-9.0) for Discharge 002' and clelPte the current 6.0-9.0 nF limitation frnr Discharge 001. DEC also proposes tc add ail_ limi testi ens (6.0-9.0) Fcr inter+ al waste strear:s 00l a (boi ler blowdo-wnr) , COlb (r aterside l.o. 1 deTineraIizer regeneration wastes), 001c ('LIccr and eeuipmert drainage) and. 002a (Waterside Fo.2 demirera.lizer reCPrel-atior. wastes) . In addition, DEC has proposed to delete pH moniterir_g requirements at Discharge 001, re V4 p�' .cni torr€ frnauencl- for Disne-ze 002 from, twice tr,-eekl? to weekly and add off? mcni toring recui remer_ts fcr waste streams 00? a (v=eekly grab) , 001b zine 002a ( grab before each batch eischarge) acd. 001c (twice monthly) . DE'C -or-poses 'that all new!rev.4sed effluent limitaticr,s and mcr_toring reezirements take eL-`ect iu:ediately upon the effective date of the renewal permit. 3 Cor. Edison's position with regard to DEC's proposed pH requirements is su=na.rized below: o Effluert limitatior_s and/or r:oni torirg requirements for pH in internal waste streams 001a, 001b, 001c, 002a or any other internal waste stream cannot 3egally be imposed it the final permit. - o 'there is no environmental justifica t-ron for a pi- 14 -mit on internal waste streams. Effluent limits on internal waste streams are redundant and unnecessary since the current pF '_frit of 6.0-9.0 at the point of discharge to the public receiving water provides adequate protection_ of water cua.L y. Furthermore, a pp- limit of 6.0-9.0 has beer. deemed acceptable by DEC at the point of discharge. o The costs to achieve a pF limit of 6.0-9.0 or, internal waste streams would be wholly disproportionate to any limited effluent reducticr_ and environmental benefits to be derived. o Even if it were eventually determined that pF limits nar ?egall7 be irvosed-for waste streams.,001a, 001b, 001c and 002a (which dor the reasons set' forth in thes-p- cements cannot la_@irullu be the case) , in order to achie-.e cor_sister_c- with the limit of 6.0-9.0 at rischa_ze 001, such limitations must be less strirrent than a rarge of 6.0-9.0 (applied at the point of df.schzrge), 'n order to take fully ir_to account plI adjustment vr-i thin the discharge tunnels; and c A coTmliance schedule to meet PH limits on internal waste streams reed net Je prcvided if Such limits are riot ultlmatei-:7 imposed. Even if it were e-;entua??-- dete=. ir:ed that pF 1 -wits or. irterr_al waste .streams ma,, 1e€all-T be imposed, a rea_crable ccmplia.nce schedule must Le provided to install equiFrent necessary to ac::ieve such 1--mitatior_s before thev become effective. The support for this position is as fellows: (a) Erflue::t Limitations and/or 11'critoTing Pecuiremerts for uH in- Internal We.ste Strears L . a, , 001c, 002a or Anv Other internal Waste Stream Cannot Legal -1-.- be Imposed tl) The Clear. `Fater Act ?.`-mi.ts t- e authority under Sectio:: 402 to cor.tro 11. in g the additior. cf ,pollutants to na-:lgab1e waters through point source discharges (Secticr.s 301 and 402 and defir-itions specified in Secticr. 502, Paragraphs (1) , (7) , (11) , (12) and -(16)). Based cr. Hnose sections, ef-f i ent 14-Ulitcti cns can be applied at the point the effluent enters the receiving weters , except by the cc:r.se::t of the rPrmittee. Therefore, t, -e point cf discharge into L navigable waters fcr Discharges 001 and 002 (ar.d 003) at the Stati en is at the confluence of the end of the discharge_ ti. eels and the East River. (2) EPA's NIPDES (Deconsclidated) Regulaticr-s (40 CFR 1?2) ?ssentially track the authority specified under Section 402 and require effluent limita-tions to be set at the point of discharge to navigable waters. Section 122.45(a) states that all permit effluent limitaticrs shall be established for "each outfall or discharge point of the permitted facil'it;T" Avicept as otherwise provided it Section 122.45(-). Section 122.45(i)(1) states that ? _r its on - tergal waste dtrezms may be imposed in encepticral cases and only if limitations at the outfall are impractical_ or infeasible. Section. 122.45(1) (2) states that 14r -its on internal waste streams may be unposed only when the Fact Sheet ur.der CF Section 46 P. 124.56 sets `ortb the e,:cepticr_al. circumstances which make such limititions necessar,?, such as when the final discharge -point is inaccessible, the wastes are so diluted as to make monitori..g impracticable or the interference of pollutants at the Point of di-scl�arge `would make detection or analysis impracticable. Both Sections 122.45•,and 124.56 are applicable to State programs. Based on these regulations, there car, be no exceptional circumstance justification for imposition of pH limits andlor monitoring regu1irements on internal waste streams unless the final. discharge point is inaccessible for samplir_g. Yor:itorin` (detection ar.d analysis) for pF (unlike poi=utants measured in te=ms of mass or concer:tration, such as heavy metals) is v.ct impractical at the point of (Hscl-erge d-oe to di'uticr or interference. Based cn the distincticr. betT.7een the nature and monitoring of pF and other pollutants, Ccn Edison has accepted irternal limits on other pollutants it some cases ( even thcugh we bP1_eve that suci: limits carnot ? e«.l'-~ be inpesed based cr. the Clean Water Act and Sate Erti iror_mer.tel Conser• at=or.. Law) since in these cases we recognize the impracticali_-T oT dete=nr. ng compliance with effluent 1--mitatioTs for such pcilutants at the final discharge (see Section 2. of these comer --t=) . :such _rpractica'_ity, , h.ewe--Pr, does not app'_- tc pF. _th reL-ard to Lr.he ques}*_cn 7 of/� samp? _.. points, pFsamples For I iscl e.rges 01 and 00' are T T r e ct�r_ ly e .t�.taker. ir_ the discharge plume off the deck rather that_ directly ir. the discharge tunnels, since p-hysica1 c_ccess to the tu.r.rels is currently unavailable i.e. the dI scharge tt:T'.nels ter-.' irate unOer the FDR Drive, about 60 feet '=rem the end of the dock. Fov:ever, Cor, Edison_ willl create samviing access points in the Discherge 001 and 002 -discharge tunnels b;7 ?ur_e 1, 1985, or by the beginnirrg of the 1.985 chlorination seaser, at Waterside, whichever iG later, as part of our chlorine compliance program (see ccu;ments ccr..cerr..ing pro -posed chicrir.e reauirem.ents, Section_ 4(c)). There -ore, there is no '.usti ficaticr_ Tor Lnternal waste street pH limits based or. Secticr 122.45. — (3) Title 8, Art?.cle 17 of the New York State Ervirormental Corservaticr_ Law (ECL) requires permits for the discharge of pollutsr.ts from. any outlet or paint source to the waters of the stare (Section 17-0803). The ECL clearly limits DEC's authorit-7. to controlling pollutants at the point such e-ffluents enter the receiving weters (Sections 17-0803, 17-0609 and the definitions specified it 17-0105, Paragraphs (2) , (11) , (15) and (16)) . This limitation is reir_forced by the SPDES regulations implementing the ECL (6 i?YCkR Parts 750-757) . Although we bei ieVe that the ECi. limits DEC's authority to impose effluent limits at the final discharge, Ccn Edison has accepted anal will ccr_tir..ue to accept internal waste stream limits for pollutants other than pH where we be!ie%-e cerarl -Lance monitoring at the final discharge point is impractical, the limitations are reasonable and not more stringent than required by appropriate regulations. This is cl.earl; not the case nor pH . (4) EPA Best Practicable Technology (BPT) regulationslimit the pF of all discharges frori steam electric power plants, except once through cooling water, to a range of 6.0-9.0 (40 CFR 423,12(b)(1); emphasis r,dced). EPA.' u current E fluent Limitati or ruidelir_es fcr pH (4 7 FR 52303, INTovemher 1.9, 1982) are identical to those ccr.tained it the init_pll-7 promulzateO Guieel ir_e3 publ4 shed it the Federal F ei is ter cn'- October S, 1974 (3° :F. 36186) . lr,. both the origir_ai and re -,7 spa? Guidelines, r o PF limitations are eYpiicitl_T placed cr any internal wv.si_e streams. Eased on the eefinitiens specified in the Clear. Water r_r_t, the F'A'A iisitar_ion eT 6.0-9.0 would apply or."I-_- at the outlets of the discharge t;~rnels to the East Di,TPr and not to an .rterral waste stream. E•v le tpr dated vi a,7 3, 1x'44 ( ar_r_2cr'.ipenit to nhi.112r 1) Ccr. Edison Lormall t7 reauested the t the U. S . "_r_Vironmental. Protection! Aa,-r'c`•7 (ETNA) clari.`v Zts BPS 2r_C .ritetna? waste stream regulations is they apply to pH. At a meeting held on August 10, 1984 between Ccr Edson and EPA., the Asenc­ stated that it -rHoulc. take .bout one month to review the ruler:akir.g record e.r_d infcrv. Con Edison-: and DEC of its determination. `" ''-- ~7-- - ^* c7,o�r 'Pt -ad December 13, 1-983, DEC states that internal waste stream moniterir_g is proposed far specific low volume wastewaters since compliar_eP with applicable ''imitations cannot be.. determined at the final discharge. For the fcllowing reasons, this explanation rices not satisfy Federal (40 CFR 124.56) and State (6 NIN'_?Q 753.3) regulations, which require that Fact Sheets set forth the -_legal and technical basis of proposed limitations: (a) The Fact Sheet does not specifically address the rationale for the proposed pH limits. Tr. fact, it cannot be detersir.ed from the Fact Sheer_ to which waste streams and pollutant_ the e?p_ar_ation pro-,74_ded in the Fact Sheet apFlies; (b) The Fact Sheet does not specify ;� whether the proposed pH limits are based on. EPA's Guidelines for Steam Electric Power Plants or DEC's pest Professional Judgement (BPJ) determination of Best Practicable Technolog,! (EPT) or Best ConverntLonal Technology (BCT), or any other basis; 1. if the proposed limit is based on EPA's Guidelines, it does not specif;? whether DFC interprets the 6.0-9.0 BPT pH Iimit to appiy to internal waste streams (are- if so, the rQaser_s for that intepretation) or to final discharges; 2. If the proposed limit is based or. BPJ, it does not address the factors specified in Section 304 oL the Clear. Water Act or 40 CFR 125.3 (See Paragraph 3 . (d) of these comments) ; (c) The Fact Sheet does not specify which sections cf the Clear_ Water Act a�r_d State Ertl=irenmental Conser-%'ation Law. provide DEC; with the authority to impose ir.terr_al waste strepm limits ::or pF. Fc -r does it specify the sections of EPA and ^,EC regulations which authrri_ze such limits ; and (d) The Fact Gneet does not specif;7 LYhich of the e-.ceptienzl circumstarces specified in 40 CFR 122.45(1) , if an-, it relied cr. tc reach the st,.ted ccrclusior_ that comp' nrce with the 6.0-9.0 pH 7.--nitaticn cannot be Bete-+:inec by monitoring at the final discharge. (b) There is Yo for PF 1 iudts on Internal t-'ater Streams The current pH limitatior_ of 6.0-9.0 at :>ischarges 001 and 002 affords ae-equate nrctection of public receivirg water eua?itJA pH 1iLit f 6.0-90 at the int scharge .vpc' deemed acceptable by El'A_ Region: 11 (and DEC b-%- its Section 401 Certification) in the initial discharge permit issued by flgion II on November 30, 1974, as well as by DEC (and Region II in its overview capacity) in the renewal permit issued by DEC on July 1, 1980. Bcth the initial and renewal permits were based on EPA's Effluent Guidelines promulgated cn October 8, 1974 and were to have included any more stringent water duality-based—requirements. Since applicable Effluent Guidelines fqr pH have not charged since initial permit issuance and DEC has nct shown_ that a final discharge Q within the range of 6.0-9.0 has caused or will cause any adverse environmental impacts, there is no basis Or imposition of more stringent pf! limitations in the renewal permit. in addition, b7 proposing to maintain the current 6.0-9.0 p?: limitation for Discharge 002, DEC hss deemed that range acceptable at the point of discharge. Furthermore, installation of a Waste r_eutral in stion system, which would be required to meet the proposed limits, would result in the addition of significant amounts of neutralizing chemicals (acid/caustic), thereby, increasing the amount of pollutants discharged. (c) The Cost To Achieve Interval Haste Stream pR Limits Zs Rally Disproportionate To The Miluert ReAction Benefits To Be Derive The Waterside Station has two demineralization systems, which are housed in separate buildings. In order to achieve the proposed pH limits for demineralizer regeneration waste streams (001b and 002a), installation_ of two waste neutralization systems would be required due to the physical layout of the facili y and the relatively large number of regenerations performed (See SPDES Application Update for more detailed information concerning regeneration_ waste streams). Each system would consist of 1-2 large neutralization tanks, pumps, acid and caustic in'jectior. s7steus, instrumentation and controls and an elaborate piping system. Con Edison. ccnservati�7ely 'estimates the total capital cost of these systems to be $3-5 million, a reasonable estimate taking into account the nature of the facility (primarily; steam se::dout) , age of the facility, its ph7sical layout and space limitations, and she relatively large number of regenerations (due to steam ser6out) . These ccs _s would increase substantially if a pF limit of 6.0-9.0 is imposed fcr boiler blcwdcwn (001a; and 002a ir_ current permit), which typically has a pH of 10-10.5. In additicr, substantial operating costs (labor azd chemicals) would be incurred. Tbe_se capital and eperatir.g costs" would ultimate? v be borne by Con Edison's steam and electric ratepayers. r As stated above, Con Edson believes that there is no environmental justification for a pN limit of 6.0-9.0 or. internal waste streams. Such limits wculd result in little, if any, envirormer_tal benefits, which are wholly disproportionate -to the costs that would be borne by Con Edison and` its ratepayers. As specified abos.=e, such recuirenents TRould, in fact, result in the discharge of increased atrour_t of pollutants. (d) if It V --ere Eventually To Be Deternined That p'R 7--inits Ma-�T Le g ally Be irrmosed For Internal -Waste Streams Such L4m4 tations riust. be Less Stringent t ar. - The existing pH limit: of 6.0-9.0 for Discharges 001 and 002 reflect Best Practicable Control Technology Currently AATailable (BPT) as defined by EPA (40 CFR 423.12(b) (1)) . By limiting the pH of internal waste streams to that same range, DEC is, it effect, proposing a limit more str_nger..t than BPT. Section 301(b)(2)(E) of the Clean. Fater Act provides for rrore stringent limits than BPT =or pH and other conventional pollutants b;= application_ of the Best Conventional Pollutant Control Technolog.* (LCT). EPA has deferred promulgation of LCT limitations for power plants pending promulgation of a revised BCT methodology, Therefore, any BCT limits imposed. in a pcG?er plant permit must be developed on a case-by-case basis, pursuant to Sector. 402(a) (1) of the Clean Water Act and Article 17, Title S of the State Environmental Conserv2tior_ 7—avT. The proposed internal waste stream limitatior of 6.0-9.0 trust accordingly be based on a case-by-case determination o BCT by DEC. EPA regulations (40 CFR 125.3(c)) allow the iMpositior. of techr_ologr based limitations to the e:,:tent FPA -promulgated effluent guidelines are inapplicable. Ir. these cases, the permit i ssuir_g authority (DEC) is required to apply the appropriate factors spec!.iPd in. Sectio: 304(b) of the Clear_ water Act. Fcr de•. -e1 cpme:.t of BCT limitations, the tactors specified in Section 304(b)(4)(R) must be applied. These factors include "the reasonableness o.a the relationship between the c_csts of attaining a reduction in effluent and the e-ffluent reeluctier. benefits derived, ar.c the comparison of the cost and let*el or reduction of such pollutant =rom publicly ownec treatment works to the cost and level of reduction of such pollutants frcm a class of categor47, of indust=_al source" are "the age o= equipment and facility es involved, the process employed, the engineering aspects of the application of various tapes of control techniques, process charges, non -water quality em•iror-menta.1 imvacts (including energ,- re-quirements) ." Case-by-case limits frust also cor_si,dei the anr;rcpriate technology fcr theapplicar_t's industrial categorr4 and tory ur_ioue factors relating to the faci.lit-: (40 CFR 125.3(c)(2)). These factors trust be considered regardless or the permit issuing authorit.r (40 CFR_ 125.3 (c)). On Y,.ovember 13, 1982, EPA proposed to revise 40 CFR 124.56 ertC 40 C-R 125.3 to e :plici tly specify' the statutezy and f- rnr; nrs that rrust be considered in setting case-by-case, Best Professional Judgement (BPJ) 14 -mi is and the information that must be included in the Fact Sheet (47 xa 52072).- The preamble to the proposed regulaticns state•s' that "Section 1245.31(c)(2) already requires permit vrr.iters t� consider -"statutory factors" in issuing EPJ permits, s -o these changes simply clarify an existing requirement." (47 FR 52080). The propcEed regulaticnsT therefore, would make explicit what is already required, namely the application of I[ --he statutory `actors and any ,other factors considered ir_ the determination of BPJ limits and. the inclusion. in • the Fact Sheet of any analysis of the application of these factors and identification of any guidar_ce or other documents relied upon in setting the iimits. DEC has net provided Cor. Edison with any documentation of its ccr_sideration of the factors specified in Secticr_ 304(b)(4)(B) and 40 CFR 125.3(c)(2) in its development of the proposed LCT limits for pH. Therefore, DEC car -not at this time impose BCT limitatiors more stringent than EPT. Even if it should ultimatel-be ee.termined that DEC may impCse pH limits on internal waste streams, which for the reasons set forth herein_ we submit it car -not lawfull-t., do, then such limitatiors must be less stringent than 6.0-1�.0 sc as not to be ir+ conflict with a 6.0-9.0 limitation at the point of discharge. Otherwise, the internal limitations wculd be more stringent thet FPT and must be ;ustified taking into account the factors specified above. (e) Ever If it Were Eventually To Be •Determ.irPd That pH Limits Liar Lena 17, Be imposed For 'r.ternG?^ :Waste Streams - P_ Reasora le Com-oliance Schedule dust be Provided If it were to eventua'_?y be deterc:ired that pig limits may legally be im-posed or. internal waste streams and such limitatiors wereinvosed, a reasonable s hu eccle of ccmpli-ance zrould reed tc be provided ir_ order to permit procurement ar.d installatier_ of r_ecessar_- ecuipment before such limits become effecti,7e. DEC's proposed ccrrpLiance deadl=ine (effective date of the renewal Dermit) is both arbitrary ar_d impossible to achieve. Although D_C has Tct provided its rationale for the proposed compliance deadline, we presume that it was based cr_ the BCT deadiir_e cf Jule 1, 1 :'a4 sp_ ecifiec' in Secricr. 301(b) (.2) (F) r_r the Clear_ ir'ater Act. ucT•.es:er, sir.ce DEC's proposed limits carr_ct leCall- be imposed under pCT as discussed previous? y, the Ju11J 1, 1-084 deadline c.ces r_ct appy. if the proposed urreascr_zble and impracticable compliance deadline were to be eventually imposed, Con Edison. would v.rfairlVbe put in the untenable position or i=ediately uiclatir_g the per -mit. For purposes of framing the issues for ccnsi deruti or: in a hearing, zry pp -=.-;t. issued blT DEC ccntainirg pH limits on internal waste streams should contain a realistic compliance schedule, to be subsequently agreed upon-, which would encompass time periods necessar�T for the procurement and installation of necessary eduipuent. (f) Monitoring Reauirements Monitoring requirements for pH cannot legally be imposed fcr internal waste steams for the reasons stated herein. If it were eventual -1-:7 to be determined that pH monitoring recuirements ma-; legally be imposed on internal wastes streams, monitoring reauirements for these waste streams should not be required price to a realistic cotrp]_iar.ce deadline eventual"agreed uper. (see paragraph (e) abo-%?e) , since the 14-vitatiers would not be effective until that time. We cannot currently cotrpl)= with the proposed requirement of taking gra.b samples before each batch discharge of deminera.li.zer regeneration wastes (001b and 002a) , since there* is no prczTision for holding up these wastes prior to discharge. Even if neutralization s;Tstems are installed, this proposed requirement may be impracticable, iy the systeus are designed for semi --continuous operation_ in +which, when_ the e'f'fluent is within the set pH range, discharge may occur rcan7 times over a regeneratier cycle. In su=ary, effluent limitaticr_s and monitoring requiretr_er.ts nor pH should -not be imposed for internal waste streams for the reasons specified above. The only pH limits that mat7 be imposed are the current BPT pertr_it limitations of 6.0-9.0 at Discharges 001 and 002 (and 0035). T'nis approach would be cc: sister_t with that recommended btT DEC in its Division of Water Guiear_ce nezrorandum Ito . ("BP3 �-.ethodologi es - Guidance for the P_vplicaticr, of Pest Professional Judgement (BPJ) in DPterinir.ir_g S'DES Ccneitior_s," dated April 1983) , -=hich states (Section VIIi.E.) . "!-,ith rac2_rd to conventional pollutants, the Departrent will generally cor•.sider BPT ar acceptable leve' of ccr.trcl, unless effluent guidelines or uatPr quality r_eceGs_tate more stringent control." Since effluent gLidel ines Trandate z pP Iimi t 'of 6.0-9.0 at the p02r:t cF discharge and water C1_0'L t1? has rct been shctar to T an,:* more stringent limits, the current limits are a.vnrcpriate and should. be i-airtair,ed. DEC inav not impose a particular tecl^rclogv ^cr ineetir:g SPrES I imitG. There' Ole, CCrt Ediscr_ should be free to Teet those limitations by the method c£ our choice. Ever. y£ DEC could legall,7 i.trpose pH lim,ita.t oris .or internal waste streams at this Tac 1i ty, e. cctipliance schedule wcul d be _ecuired to achieve sue: limitations. 1n addition, nct'W-Lthstarding the legal argu=ents against imposit_cr. of pH a 0 LEM a r requirements for interral waste strepams, DEC gust provide the legal and t4chnical basis, including any supporting dccumertaticn, -for any such reeuiremer-ts prior to their establishr-ent _r a final peri t. 1-f such rationale is e17P*:tuz'_l�* prcvided, Cor, Edi son must be given a rea-scr.able opportunity for evaluation and submission of cements. a 0 LEM a